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THR can be a complement to, not a substitute for, evidenced-based tobacco control interventions. Tobacco control professionals need to focus on objective assessment of and discussion about the potential costs and benefits of THR.

This study provides new evidence that oxytocin might have clinical value in the treatment of addictive disorders, in this case tobacco addiction. The study adds to a growing literature suggesting that this neuropeptide, which is mainly known for its role

As the FDA considers reducing the level of nicotine in cigarettes to make them less addictive, understanding the potential impact of this policy on young people is of crucial importance. We found that young adults had significantly lower positive subject

If the FDA mandates a reduced nicotine content standard for cigarettes, educational campaigns will be needed to correct misperceptions about RNC cigarettes’ addictiveness and potential to aid cessation as well as inform consumers about their safety risks

adolescent e-cigarette users are experiencing symptoms of dependence specific to e-cigarettes. In addition, symptoms of dependence may be barriers to e-cigarette cessation. Future research is needed to determine if characteristics of e-cigarette use (e.g.

“Kids may think they’re vaping flavor-only e-cigarettes, but the actual nicotine content of e-juice may be considerably higher than what is written...“A cigarette can be a cheap and quick alternative... The more they smoke, the more their perception of tr

However, emerging evidence suggests that e-cigarettes as actually used, actually depress, not assist cigarette smoking cessation for most users, and are a gateway to youth smoking. So, should they be recommended? Experts debate the issue in The BMJ toda

The good news from this article is that after the passage of a federal law in 2015 requiring child-resistant packaging for liquid nicotine containers, the number of exposures per year dropped, although is still occurring. This study takes the lid off yet

(FDA) is issuing this advance notice of proposed rulemaking (ANPRM) to obtain information related to the role that flavors play in tobacco products. Specifically, this ANPRM is seeking comments, data, research results, or other information about, among o

despite the fact that, last week, regulations.gov published requests from Altria Group, Inc. (MO) and Reynolds American Inc., a subsidiary of British American Tobacco (BTI), petitioning the FDA for an additional 90-days beyond the original public comment